Ajay Kumar Sanganeria, Partner, Head of Tax, KPMG in Singapore
Harvey Koenig, Partner, Energy & Natural Resources and Telecommunications, Media & Technology, Tax, KPMG in Singapore
As we navigate the complexities of a rapidly evolving global economy, Singapore once again stands at a crossroads. The city-state needs to continue attracting foreign direct investments (FDI) while also adapting to the Organisation for Economic Co-operation and Development’s (OECD) Base Erosion and Profit Shifting (BEPS) initiative. This calls for a progressive, yet strategic, approach to tax reform – a key consideration for the upcoming 2024 Singapore Budget.
The BEPS Pillar Two initiative, which stipulates a global minimum tax of 15 per cent for multinational enterprise (MNE) groups with revenues exceeding 750 million euros (S$1.1 billion), is prompting jurisdictions worldwide to re-evaluate their fiscal strategies. Several jurisdictions regionally and globally have already adjusted their tax systems to respond to these guidelines. To maintain its position as a top FDI destination, Singapore should consider a similar proactive approach. This will not only ensure compliance with global standards, but also enhance Singapore’s competitiveness while bolstering its standing on the international stage as well.
To elevate Singapore’s growth and competitiveness, three areas are crucial:
- Maintaining a competitive tax regime to stimulate economic growth,
- Reviewing tax incentive schemes to sustain inflow of wealth and funds, and
- Avoiding double taxation to boost Singapore’s innovation capabilities.